Reopening Notice Issued by Non-Jurisdictional Assessing Officer After Section 127 Transfer Order Is Void and Quashed
Reopening Notice Issued by Non-Jurisdictional Assessing Officer After Section 127 Transfer Order Is Void and Quashed Issue Whether a reassessment notice issued under Section 148 of the Income-tax Act, 1961 by an Assessing Officer who lost territorial jurisdiction due to a prior transfer order under Section 127 is legally valid or liable to be quashed.… Read More »

